IGS management is responsible for defining, conducting strategy and approving corporate policies against bribery and corruption in the public sphere, as well as policies relating to the protection of the company in terms of international measures and sanctions
The purpose of these Policies is to detail the principles through which IGS advisors and employees, as well as third parties with whom it is related doing business, must act when it is necessary to offer or receive gifts, hospitality or attend or organize events interacting with public officials.
IGS declares and manifests zero tolerance for corruption, fraud and behavior contrary to the Codes of Ethics and Conduct.
IGS prohibits making gifts, gifts, hospitality, cash or equivalent payments, or any other benefit to public or government officials, either directly or indirectly, that could be considered to influence any business decision to obtain an undue benefit.
Likewise, IGS strictly prohibits donations or any type of economic aid to political parties or public entities that can be understood as financing political parties. Any problem or doubt of interpretation arising in relation to this must be notified to the general administration of the company through the email info@igs-sc.com
The IGS management will periodically review the Anti-Bribery and Anti-Corruption Policy in the Public Sphere proposing possible modifications and updates that are considered necessary to minimize corruption and fraud.
With regard to international sanctions, the IGS management, with the support of the administrative management, must ensure the protection of IGS against possible sanctions and measures taken by international organizations
To this end, in order to establish a relationship with IGS, both employees, as well as partners, suppliers and customers of IGS must declare that they expressly comply with all laws and regulations applicable to their functions or scope of operation, and in particular they must declare that they are not subject to the restrictions derived from the PBC-FT, Foreign Corrupt Practices Act of the United States, or be included directly or indirectly in the lists issued by the Office of Foreign Assets Control.
The administration management will carry out a continuous review control with the aim of identifying behaviors contrary to those determined in this Policy and in the Code of Ethics and Conduct that could lead to potential fraud or conflict of interest, as well; as well as continuously ensure that they avoid exposure to any agent, person, or company that may be sanctioned by any type of organization or international regulatory entity.
March14th, 2024
Integrated geosciences and engineering services
1915 Canyon Crest Dr. Sugar Land, TX 77479-8951 Houston Texas, USA
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Email: info@igs-sc.com